OfCom Consultation Response 6 September 2011

Size: px
Start display at page:

Download "OfCom Consultation Response 6 September 2011"

Transcription

1 CONSULTATION BY OFCOM ON BATTERY BACK- UP FOR SUPERFAST BROADBAND SERVICES WHICH USE FIBRE OPTIC TECHNOLOGY (THE CONSULTATION ) RESPONSE BY HYPEROPTIC LTD About Hyperoptic Hyperoptic Ltd is the new high- speed broadband internet service provider (ISP) targeting the UK consumer and business markets. For the consumer market it will focus on multi- dwelling units in high density areas, and will offer leased line replacement services for businesses in those same areas. Hyperoptic will deploy its own network in the UK, utilising managed Ethernet services and dark fibre to connect its local points of presence (POPs) to its Data Centre and sites served. It will then install its own in- building network that will be independent of the BT copper and existing last mile network. Hyperoptic will provide: Differentiated products, with extremely high access speeds (1 Gig, 100 Meg, and 20 Meg) and value added services End- to- end control of the network, allowing for provision of high level SLAs Very competitive offerings due to an efficient cost structure and well chosen sites The company has the benefit of building a completely new network based on the latest fibre technology, allowing it to provide much higher quality product than is currently available. Specifically, it will offer speeds of up to 1 Gig symmetric using point to point ethernet, at a competitive price, due to leveraged resources, and provide a much better service with the use of a highly customisable and reliable network infrastructure and dedicated service agents. At launch, Hyperoptic intends to offer a VoIP based telephony service, and may consider TV and other add on services in the future. The outcome of this Consultation will have a direct impact on Hyperoptic s business and on its customers. Hyperoptic therefore welcomes an opportunity to comment on Ofcom s proposals. It will be happy to discuss its comments in more detail if this would be of assistance. Question 1: Do you agree that Ofcom s guidance on battery back- up needs to be reviewed at this time? Hyperoptic believes that it is important that the nature and scope of obligations relating to battery back- up are clear to encourage investment in the market for superfast broadband services and to ensure effective competition. It welcomes clarity on this issue. Question 2: Do you agree with the scope of this Consultation as set out in Section 4? No. Hyperoptic believes that the scope of the Consultation is too narrow and requires further consideration. In particular: 1

2 1. Overlay Solutions The Consultation appears to operate from the premise that battery back- up is at present generally mandated for fibre broadband providers. This is not correct. The existing guidance on battery back- up (set out in Ofcom s statement Next Generation New Build, 2008 the New Build Statement ) relates only to new build developments and does not extend to overlay solutions. The Consultation therefore proposes to impose obligations where they did not previously exist. Ofcom s regulatory principles require that, prior to proposing intervention, Ofcom considers and consults on the question of whether the introduction of regulation is required and whether the relevant risks can be addressed by less intrusive means. Hyperoptic does not believe Ofcom has observed this principle in the present case. There are key differences between the considerations that apply in relation to new build developments and those relating to overlay solutions: On an overlay solution, the consumer makes a positive choice to adopt new infrastructure. Hyperoptic believes that situations where consumers can exercise choice to avoid the risks in question are most appropriately addressed through the provision of information. Consumers are then able to make informed choices which take account of service limitations without bearing the costs of intervention and without impact on competition within the market. Removing the requirement for battery back- up for fibre access (to the extent that this already exists) is one of the options included in the Consultation (paras 5.52 and 5.53), but is rejected by Ofcom on the basis that Ofcom.. consider(s) that the absence of a battery back- up facility, while offering a simple FTTP deployment solution, would not meet the obligations under GC3. The aim pursued by GC3 is to take all necessary measures to maintain, to the greatest extent possible, uninterrupted access to emergency organisations as part of any PATS offered. Thus, it is against that aim that proportionality needs to be assessed. The implication here is that it is not possible for a fibre broadband provider to comply with GC3 without providing some form of battery back- up. Hyperoptic does not accept this interpretation and submits that, in relation to overlay solutions in particular, Ofcom should have proposed and considered a range of available solutions including less intrusive options. 2. Competing Broadband Technologies Hyperoptic understands that the issues raised by the provision of non line- powered broadband are the same irrespective of the technology employed. Hyperoptic believes that the Consultation should extend to broadband provision over technologies such as licensed wireless, UMA, satellite, wimax, LTE and a DOCSIS only solution. These services are functionally equivalent to broadband provided over fibre and should therefore be considered on the same basis. 3. Fibre Broadband Solutions Hyperoptic notes Ofcom s statement that the scope of the Consultation is limited to FTTP services and its suggestion that in some cases it would not apply to FTTC services (Consultation, para 4.7). However, it believes that greater consideration needs to be given to the issues raised by mandating battery back- up for different technical solutions. As noted by Ofcom in the New Build Statement, fibre broadband may be implemented through a number of different methods: Incumbents who enjoy the benefit of extensive local exchange facilities are likely to adopt a GPON solution (as we see proposed by BT), while new entrants are likely to install multiplexed networks - or hybrid solutions, such as FTTC and FTTB. These options raise the same issues for consumers, but the costs of 2

3 and difficulties involved in complying with a battery back- up obligation vary greatly according to the solution adopted. The proposals set out by Ofcom in the Consultation assume a GPON solution. They fail to take account of the costs of and difficulty entailed in complying with a battery back- up obligation by providers offering hybrid solutions. As Ofcom notes in the New Build Statement, participation by new entrants to the market might be expected to bring new ideas and innovations (New Build Statement, para 2.9). Investment in fibre broadband solutions and participation by new entrants is therefore key to establishing healthy competition and promoting consumer choice. If Ofcom fails to take account of the difficulties its proposals present to the providers of hybrid solutions it risks creating a competitive advantage in favour of one solution, discouraging new entrants and stifling competition (see, further, Hyperoptic s response to question 3, below). 4. PCNs/PATS Providers One further and fundamental difficulty perceived by Hyperoptic concerning the scope of the Consultation relates to its focus on fibre broadband providers, that is, on the providers of Public Communications Networks (PCNs). Delivery of VoIP services to consumers may involve Communications Providers (CPs) operating at different levels of the market; a broadband provider with control of the underlying network and a VoIP service provider. Hyperoptic considers that the question of where responsibility for compliance with GC3.1(c) lies is of fundamental importance. In the New Build Consultation, Ofcom proposed imposing obligations on PATS providers. It did not consult on the question of whether obligations could or should be imposed on network operators. The position adopted by it in the New Build Statement which imposes obligations on the providers of PCNs - is fundamentally different from that proposed in the related consultation. Respondents were not given an opportunity to comment on this during the consultation process. Hyperoptic believes that Ofcom s assertion that GC3.1(c) applies to communications providers (CPs) that provide a Publically Available Telephone Service (PATS) and/or operate a PCN is flawed. Considering the issues raised by seeking to impose GC3.1(c) obligations on CPs operating at different levels of the market: (i) Communications Providers who operate PCNs but do not offer PATS Hyperoptic considers that there are legal difficulties in seeking to impose GC3.1(c) obligations on providers of PCNs. GC3.1(c) provides that CPs should take all necessary measure to maintain, to the greatest extent possible...(c) uninterrupted access to Emergency Organisations as part of any Publicly Available Telephone Services offered. In the past it has been generally considered (including by Ofcom, see Ofcom s 2007 Statement on the Regulation of VoIP Services, para A5.58) that GC3.1(c) applies only to providers of PATS. However, in both the New Build Statement and the current Consultation, Ofcom references GC3.3, which provides that that for the purposes of GC3.1 a Communication Provider is a person who provides a Publicly Available Telephone Service and/or provides a Public Communications Network over which a Publicly Available Telephone Service is offered. 3

4 The interpretation that has generally been placed on GC3.3 is that it is intended to narrow the application of GC3.1 by ensuring that it applies only to those persons who are responsible for the provision of the PATS or PCN in question (i.e., that referenced in GC3.1(a), (b) or (c)) and does not extend, for example, to marketing agents. GC3.3 should therefore be read as if the words, as applicable had been included at the end of the sentence. Instead, Ofcom relies on this definition in support of its suggestion that GC3.1(c) may be applied interchangeably to the providers of PATS or PCNs, that is, it assumes that the intention of GC3.3 was to broaden the application of GC3.1. Hyperoptic considers this to be a purposive interpretation of GC3 and finds it is difficult to maintain for the following reasons: The intended scope of GC3.1(a) and (b) is clear from the drafting of those provisions. Para (a) (obligation to maintain proper and effective functioning of the PCN) applies only to PCN providers and para (b) (obligation to maintain PCN and/or PATS in event of catastrophic network breakdown) is applied expressly to providers of both PCNs and PATS. If it had been intended that para (c) should also apply to providers of both PCNs and PATS it seems likely that this would have been made clear within the text of that paragraph that is, that the wording of para (c) would mirror that of para (b). The obligation set out in GC3.1(c) originates in Article 23 of the Universal Service Directive, which provides in the relevant part Member States shall ensure that undertakings providing publically available telephone services... take all reasonable steps to ensure uninterrupted access to emergency services. There is no suggestion that this obligation is to be applied to the providers of PCNs (unless they also offer PATS). If Ofcom intends to rely on GC3.1(c) to impose obligations on providers of PCNs it will need to propose modifications to that condition and to consult on those proposals. Leaving aside the legal difficulties highlighted above, Hyperoptic believes there are a number of practical difficulties involved in imposing an obligation which is triggered by provision of a service (access to the emergency services) on a third party CP that does not provide that service. The most obvious of these relates to overlay solutions. Where a CP is implementing a fibre solution in premises where copper lines are already installed, the CP may not be aware that customers are accessing VoIP services over its network. It may be that this is the point that Ofcom intends to address in para 4.7 of the Consultation where it states This consultation is not concerned with fibre to the cabinet- based solutions in which power for telephony services is provided along the copper wire and therefore no customer installed battery backup to maintain telephony services is necessary. Hyperoptic finds the reference in para 4.7 to FTTC solutions misleading as this issue arises irrespective of where the fibre provision terminates (be it FTTC, FTTB, FTTP or FTTH). However, Ofcom s proposal appears to be that where a CP is providing a fibre overlay solution and has confirmation from a customer that the customer has an operational copper line, the requirement to conduct a risk assessment will have been fulfilled. Hyperoptic believes greater clarity is required on this point but is broadly in support of this proposal. 4

5 (ii) Communications Providers who offer PATS but do not operate PCNs (VoIP service providers) As stated above, it is clear from Article 23 of the Universal Service Directive that the obligation set out in GC3.1(c) was intended to be imposed on those offering PATS, in this case, VoIP service providers. Ofcom set out its views on the application of GC3.1(c) to VoIP service providers in its statement on the regulation of VoIP services (Regulation of VoIP, 2007 the VoIP Statement ). It concluded that, wherever possible, VoIP service providers should negotiate SLAs with relevant PCNs concerning quality of service but that battery back- up for CPE should be a matter for each individual VoIP service provider in its discretion. Hyperoptic believes that in the great majority of cases, VoIP providers have little visibility of the infrastructure over which their services are accessed and have no contractual relationship with (or bargaining power with) the underlying network provider. It believes there are difficulties with the suggestion that VoIP providers negotiate SLAs but agrees that VoIP providers should not be obliged to provide battery back- up for CPE. (iii) Communications Providers who operate PCNs and offer PATS In the VoIP Statement, Ofcom suggested that the action required to be taken by VoIP service providers to comply with GC3.1(c) would depend on the degree of control that each individual VoIP provider exercised over service delivery (VoIP Statement, para 4.32). However, if, as is argued above, GC3.1(c) is not capable of imposing an obligation on the providers of PCNs and imposes little in the way of practical obligations on VoIP service providers, it cannot follow that greater obligations be imposed on a fibre broadband provider which offers VoIP service solely on the basis that network and service provision are controlled by the same CP. If this were the case, it would give rise to the anomaly that a customer using the VoIP service offered by its fibre broadband provider would benefit from battery back- up whereas a customer using fibre broadband to access a third party VoIP service would not. In such a scenario, VoIP service providers who operated the underlying fibre networks would find themselves at a competitive disadvantage and there would be a strong disincentive for broadband providers to offer VoIP. This would reduce competition and impact consumer choice. Such a result cannot be correct. Question 3: Do you agree that a battery back- up facility should always be provided? No. Hyperoptic does not believe that requiring CPs to provide battery back- up is proportionate to address the risks identified by Ofcom nor does it believe that such a solution will achieve Ofcom s policy objectives. 1. Benefit to Consumers In attempting to calculate the likely benefit to consumers of mandating the provision of battery back- up, Ofcom assesses the risk which it perceives to be presented by the provision of VoIP services over unpowered fibre broadband. It concludes the probability that the emergency call is made on the same day as the power failure is of the order of one in two million... the probability of the emergency call occurring at the same time of day as a power failure would be significantly less than this figure (para 5.20). The risk to consumers is therefore, in Ofcom s assessment, minimal. However, in many cases, battery back- up will not alleviate this risk and the solution proposed by Ofcom secures an even lower level of benefit. Hyperoptic understands that, on a GPON solution, back- up power supplied to the ONT may power the relevant CPE. However, on a hybrid solution, any back- up power would be installed at the end of the fibre and located remotely from the customer s premises: It would not power CPE. Ofcom s position on the powering of CPE is 5

6 very clear it may be provided to consumers as part of a service offering, however, its provision is not mandatory (see VoIP Statement and Consultation para 3.15). The powering of CPE would therefore be a matter for consumers and is unlikely to be addressed by the majority of users - as is currently the case in relation to DECT phones, where customers do not purchase any form of back- up but instead rely on mobile access in the event of power outages. In cases where the CPE does not have the benefit of back- up power, there is little benefit in providing battery back- up for the fibre line particularly when one takes into account the costs associated with such provision (see below). Even in relation to GPON solutions, in Hyperoptic s view, Ofcom has failed to satisfy the requirement that it seek and take account of relevant inputs. Two significant factors which Ofcom addresses briefly but seemingly fails to take into account are as follows: Mobile access: The figures quoted by Ofcom show that over 61% of all UK emergency calls are made from mobiles (section 5, table 3). Coverage and hand- set take- up in the UK are very high at 95% and 90% respectively. (para 5.21). The availability of mobile phones is clearly relevant to Ofcom s cost- benefit analysis: If consumers choose to use mobiles (particularly if they have been educated as to and understand the limitations of the fibre service), the risk presented by power outages is greatly reduced. Ofcom expresses doubts as to the availability of the relevant mobile network to support calls in the event of a power outage (which Hyperoptic understands to have the benefit of back- up power) but has not sought verification on this point from mobile operators. DECT phones: Given the high levels of DECT take- up in the UK, a large proportion of households in the UK may rely exclusively on DECT technology. Consumers using DECT handsets are already exposed to the risk of power outages and will derive no benefit from battery back- up to the ONT. As Ofcom itself acknowledges, providing and presenting to customers a battery back- up solution which fails to provide back- up when called upon arguably presents a greater risk to consumers than failing to provide any back- up at all. Finally, it should of course be noted that even a consumer using a device powered by the ONT back- up will not obtain benefit from the provision of a battery back- up unit unless that consumer takes action by monitoring battery- life and replacing batteries. Experience gained from the installation of smoke alarms indicates that a reasonable proportion of consumers will fail to maintain batteries as required. 2. Costs Ofcom suggests that the deployment and installation costs of providing battery back- up comprise the costs of the charging unit and the batteries themselves and further suggests that these costs may comprise several percent of the overall installation costs. However, this conclusion assumes deployment of a GPON solution. The costs of and difficulties entailed in providing battery back- up for a hybrid solution are far greater. Hyperoptic estimates that the incremental costs entailed in the initial provision of a one- hour battery back- up (without reference to the additional enhanced provision that might be required to serve vulnerable consumers) will amount to 50% percent of its overall equipment costs. However, this will not represent the totality of its costs: On a hybrid solution, the equipment benefitting from the back- up is shared and installed in a roadside cabinet or in the basement of a multi- tenanted building. If CPs providing a hybrid solution are required to provide battery back- up then, of necessity, responsibility for maintenance of the battery will fall on the CP. Undertaking battery maintenance would represent a significant and onerous obligation: The CP would 6

7 need to make frequent visits to check alarms on the charging unit and there is a chance that batteries might fail between visits. This could have significant implications in terms of liability. There are also practical difficulties associated with the provision of batteries on hybrid solutions: Ofcom suggests that FTTC operators will not be subject to the battery back- up obligation where telephony services are provided over a copper line. However, FTTC operators already offer broadband only solutions. If customers of these solutions indicate an intention to abandon the copper line in favour of third party VoIP services provided over the fibre broadband, the FTTC operator will, on Ofcom s current proposals, presumably have an obligation to provide back- up. This back- up would need to be installed in roadside cabinets and be large enough to serve a number of homes. This raises significant challenges in terms of space. If the practical issues facing hybrid fibre broadband providers could be overcome, the costs of compliance with the battery back- up obligation would be passed on to consumers. These costs could be significant and one possible outcome, therefore, would be that hybrid solutions would be priced out of the market. 3. Conclusions Examining all the factors that Hyperoptic submits are relevant to Ofcom s cost- benefit analysis particularly as they relate to CPs that provide hybrid solutions - Hyperoptic concludes as follows: There is no benefit to consumers of CPs that offer hybrid solutions providing battery back- up for fibre broadband unless the CPE also benefits from back- up. CPE can be customer- provided. Neither the fibre broadband operator nor VoIP service provider has visibility or control of the CPE used by customers and neither is therefore able to provide back- up. If CPE back- up is not provided, Hyperoptic believes that the majority of customers will not take the initiative to purchase it. As CPE would remain unpowered, requiring CPs offering hybrid solutions to provide fibre back- up not address the minimal one in two million risk identified by Ofcom. The benefit secured for consumers would be far lower than this. The costs of and difficulties entailed by providing battery back- up for hybrid solutions are significant and onerous: Existing cabinets may not be large enough to accommodate shared batteries and CPs would need to assume responsibility for battery maintenance. Given the above, Hyperoptic does not accept that the benefits that might accrue to consumers from Ofcom s proposals will outweigh the costs. Hyperoptic does not agree that the present proposals are in line with Ofcom s policy objectives. If Ofcom applies these proposals to hybrid fibre broadband solutions there is a significant risk that it will deter new market entrants the players that Ofcom acknowledges are likely to bring innovation. This will distort competition and significantly limit consumer choice. Ofcom s proposals could also be argued to limit consumer choice by failing to allow consumers to determine whether they wish to purchase and pay for battery back- up. Many consumers 7

8 particularly those who make use of DECT handsets - may prefer to rely on mobile access to the emergency services and thus avoid the costs associated with supply of the back- up unit. Hyperoptic submits that the concerns expressed by Ofcom objectives would be better met and the risks identified by Ofcom addressed in a more proportionate manner by requiring fibre broadband providers to provide information to consumers and by allowing consumers to choose between competing offerings. This would also better achieve Ofcom s policy objectives. The same issues and difficulties as highlighted above - arise in relation to both overlay and new build developments. Question 4: Do you agree that the proposed minimum battery longevity of 1 hour is appropriate? See response to Question 3. Question 5: Do you agree with our proposed approach to address the needs of individual customers requiring additional protection? Hyperoptic understands the concerns expressed by Ofcom concerning vulnerable consumers but, again, believes that there are difficulties with the approach proposed. Working on the assumption that a battery back- up obligation can be imposed on broadband providers and that such an obligations would be proportionate to the risks involved (neither of which Hyperoptic accepts), the suggestion that CPs might be required to cater for those who might require additional protection raises some further issues and presents additional challenges. In relation to a hybrid solution, batteries would need to be substantial even to provide a 1 hour back- up solution. Implementing even the minimal level of back- up would therefore raise issues in terms of space, cost and maintenance which CPs may not easily be able to meet. Catering for additional needs in addition to this may not be feasible. If Ofcom is minded to introduce such a requirement, Hyperoptic believes it will need to consider and provide additional guidance on the questions of how such customers would be identified and their needs assessed and whether CPs would be entitled to levy increased charges for the enhanced service. Hyperoptic Ltd 6 September

BT s response to Ofcom s consultation on battery back-up for superfast broadband services which use fibre optic technology

BT s response to Ofcom s consultation on battery back-up for superfast broadband services which use fibre optic technology BT s response to Ofcom s consultation on battery back-up for superfast broadband services which use fibre optic technology September 2011 BT welcomes comments on the content of this document, which will

More information

ITSPA Response to Ofcom Consultation - Regulation of VoIP Services: to the Emergency Services

ITSPA Response to Ofcom Consultation - Regulation of VoIP Services: to the Emergency Services - Regulation of VoIP Services: Access This response is on behalf of the Internet Telephony Services Providers Association (ITSPA) and takes a general overview of the consultation and accompanying statement.

More information

Broadband deployment and sharing other utilities infrastructure

Broadband deployment and sharing other utilities infrastructure Response to BIS discussion paper Broadband deployment and sharing other utilities infrastructure September 2010 BSG welcomes the government s discussion paper on infrastructure sharing. BSG has always

More information

2015 VOLUNTARY CODE OF PRACTICE: BROADBAND SPEEDS

2015 VOLUNTARY CODE OF PRACTICE: BROADBAND SPEEDS 2015 VOLUNTARY CODE OF PRACTICE: BROADBAND SPEEDS Version 3.0 dated June 2015 Contents The Spirit of the Code Introduction Definitions of Speed and Technologies Applicability of the Code History and development

More information

Fibre Broadband It can kill your customer experience

Fibre Broadband It can kill your customer experience Fibre Broadband It can kill your customer experience With the growth of bandwidth hungry applications and increased penetration of internet enabled devices such as laptops, game boxes etc broadband service

More information

BT Global Services. Access in EU. BT Connect. Networks that think

BT Global Services. Access in EU. BT Connect. Networks that think BT Global Services Access in EU BT Connect. Networks that think Mike Lloyd Career started in project management of complex IT & network solutions Product manager for international circuits BT lead for

More information

Delivering broadband in Iwade

Delivering broadband in Iwade Delivering broadband in Iwade Craig Wilkie Head of Business Development Tuesday 24 November, 2009 Disclaimer It should be noted that the proposals for the products outlined in this slidepack represent

More information

Free wifi in the TRA halls and faster mobile access

Free wifi in the TRA halls and faster mobile access Free wifi in the TRA halls and faster mobile access Glossary of Telecommunications terms 2G 2G is a digital mobile communications standard allowing for voice calls and limited data transmission. 2G refers

More information

The Yorkshire SME Internet Connectivity and Business Growth Survey 2015

The Yorkshire SME Internet Connectivity and Business Growth Survey 2015 The Yorkshire SME Internet Connectivity and Business Growth Survey 2015 Foreword by David Tindall This survey took place in May 2015, when Talk Straight joined forces with Yorkshire Business Insider to

More information

Digital Inclusion Programme Started. BL2a

Digital Inclusion Programme Started. BL2a PROJECT BRIEF Project Name Digital Inclusion Programme Status: Started Release 18.05.2011 Reference Number: BL2a Purpose This document provides a firm foundation for a project and defines all major aspects

More information

2. BROADBAND IN SCOTLAND: PUBLIC SECTOR INTERVENTION & ACTIVITY

2. BROADBAND IN SCOTLAND: PUBLIC SECTOR INTERVENTION & ACTIVITY BROADBAND, COMMUNICATIONS AND DIGITAL CONNECTIVITY SUMMARY This paper provides background on digital connectivity in Scotland; with specific focus on broadband connectivity, and the Highlands and Islands

More information

GUIDE. Voluntary Agreement on Standards for Fixed Broadband Services

GUIDE. Voluntary Agreement on Standards for Fixed Broadband Services GUIDE to the Voluntary Agreement on Standards for Fixed Broadband Services Between the Commerce and Employment Department, Sure and JT What is the broadband standards voluntary agreement? This is an agreement

More information

A NEW BROADBAND UNIVERSAL SERVICE OBLIGATION CONSULTATION

A NEW BROADBAND UNIVERSAL SERVICE OBLIGATION CONSULTATION A NEW BROADBAND UNIVERSAL SERVICE OBLIGATION CONSULTATION 23 March 2016 Table of Contents Ministerial foreword... 2 Consultation scope and how to respond... 3 Section 1: What is the issue and why does

More information

Central Superfast Broadband Project Frequently Asked Questions

Central Superfast Broadband Project Frequently Asked Questions Central Superfast Broadband Project Frequently Asked Questions What is the Central Superfast Broadband Project? The Central Superfast Broadband Project is a partnership between Central Bedfordshire Council,

More information

Oman Broadband Company. 1 st of June 2014

Oman Broadband Company. 1 st of June 2014 Oman Broadband Company 1 st of June 2014 1. Broadband 2. impact on the society Current situation in Oman Facts 4. OBC role and expected contribution What is broadband Fixed Broadband Narrowband or dial

More information

fibre to the home Superfast Broadband

fibre to the home Superfast Broadband fibre to the home Superfast Broadband DIGITAL TV NETWORKS CCTV IPTV DOOR ENTRY ACCESS CONTROL GATES & BARRIERS FIRE PROTECTION WARDEN CALL & RESPONSE PERSONAL ATTACK VOICE EVACUATION PAGING design install

More information

European Commission Directorate-General for Competition State Aid Registry, Unit C 4 1049 Brussels, Belgium

European Commission Directorate-General for Competition State Aid Registry, Unit C 4 1049 Brussels, Belgium Kabel Deutschland Vertrieb und Service GmbH Betastr. 6-8 85774 Unterföhring European Commission Directorate-General for Competition State Aid Registry, Unit C 4 1049 Brussels, Belgium E-Mail: comp-broadband-guidelines@ec.europa.eu

More information

Executive Summary... 1. 1 What is required to reflect market reality?... 3. 2 What does the literature tell us?... 4

Executive Summary... 1. 1 What is required to reflect market reality?... 3. 2 What does the literature tell us?... 4 The copper fibre transition - a guide for the perplexed A report for ETNO Brian Williamson and Thomas Punton February 2012 Plum Consulting, 26-27 Southampton Street, Covent Garden, London, WC2E 7RS T:

More information

Next Generation Access Glossary. 21CN: BT s upgrade of their core network (the backbone of the network).

Next Generation Access Glossary. 21CN: BT s upgrade of their core network (the backbone of the network). Next Generation Access Glossary 21CN: BT s upgrade of their core network (the backbone of the network). Access network: The part of the network that connects directly to customers from the local telephone

More information

Analysys Mason s expertise in broadband and next-generation networks (NGNs)

Analysys Mason s expertise in broadband and next-generation networks (NGNs) Capability overview Analysys Mason s expertise in broadband and next-generation networks (NGNs) Selected projects on broadband and NGN [1] 2 Business case for FTTC and FTTH in Europe (2008) Business case

More information

NBN Frequently Asked Questions NBN Information Pack for Safety Link Clients

NBN Frequently Asked Questions NBN Information Pack for Safety Link Clients NBN Frequently Asked Questions NBN Information Pack for Safety Link Clients Table of Contents Table of Contents... 2 General FAQs:... 4 What is the NBN?... 4 Do I have to connect to the NBN?... 4 What

More information

Ofcom consultation: Regulation of VoIP services Issued on 22 February 2006. Response by the FCS VoIP Group- May 2006

Ofcom consultation: Regulation of VoIP services Issued on 22 February 2006. Response by the FCS VoIP Group- May 2006 Ofcom consultation: Regulation of VoIP services Issued on 22 February 2006 Response by the FCS VoIP Group- May 2006 Contact: Jacqui Brookes CEO Federation of Communication Services Burnhill Business Centre

More information

Rural Communities, BT s written evidence to Commons Select Committee October 2012

Rural Communities, BT s written evidence to Commons Select Committee October 2012 Rural Communities, BT s written evidence to Commons Select Committee October 2012 Page 1 of 5 Rural Communities, BT s written evidence to Commons Select Committee 1. BT is pleased to provide evidence,

More information

Regulation of VoIP Services

Regulation of VoIP Services Regulation of VoIP Services Statement and publication of statutory notifications under section 48(1) of the Communications Act 2003 modifying General Conditions 14 and 18 Statement Publication date: 29

More information

CONTACT(S) Riana Wiesner rwiesner@ifrs.org +44(0)20 7246 6926 Jana Streckenbach jstreckenbach@ifrs.org +44(0)20 7246 6473

CONTACT(S) Riana Wiesner rwiesner@ifrs.org +44(0)20 7246 6926 Jana Streckenbach jstreckenbach@ifrs.org +44(0)20 7246 6473 IASB Agenda ref 5D STAFF PAPER IASB Meeting Project Paper topic Financial Instruments: Impairment Definition of default 16-19 September 2013 CONTACT(S) Riana Wiesner rwiesner@ifrs.org +44(0)20 7246 6926

More information

PLANNING FOR BROADBAND. The benefits of installing high speed broadband infrastructure in new developments

PLANNING FOR BROADBAND. The benefits of installing high speed broadband infrastructure in new developments PLANNING FOR BROADBAND The benefits of installing high speed broadband infrastructure in new developments February 2016 Planning for Broadband Aim of this note This document aims to highlight the benefits

More information

Cloud4 User Guide Reliable connectivity for the cloud from Cloud4

Cloud4 User Guide Reliable connectivity for the cloud from Cloud4 Cloud4 User Guide Reliable connectivity for the cloud from Cloud4 Choosing the right broadband for your business If you ve ever shopped around for a good broadband deal for your home then you might have

More information

SUPERFAST BROADBAND. A technology guide

SUPERFAST BROADBAND. A technology guide 1 SUPERFAST BROADBAND 2 The world of broadband is littered with jargon and technical terms. This guide is intended to help small businesses and charities who want to upgrade their broadband connection

More information

Prospects and Problems GPON Technology over Ethernet Technology

Prospects and Problems GPON Technology over Ethernet Technology Prospects and Problems GPON Technology over Ethernet Technology Md. Hayder Ali hayder.iict@gmail.com SANOG 23 Conference Thimpu, Bhutam Bangladesh : Name: People's Republic of Bangladesh Population: 164.4

More information

BRITISH TELECOMMUNICATIONS PLC V OFCOM (ETHERNET DETERMINATIONS) [2014] CAT 14

BRITISH TELECOMMUNICATIONS PLC V OFCOM (ETHERNET DETERMINATIONS) [2014] CAT 14 BRITISH TELECOMMUNICATIONS PLC V OFCOM (ETHERNET DETERMINATIONS) [2014] CAT 14 Ligia Osepciu Monckton Chambers August 2014 On 1 August 2014, the Competition Appeal Tribunal ( the Tribunal ) delivered its

More information

BROADBAND CONNECTION VOUCHER SCHEME Application Form

BROADBAND CONNECTION VOUCHER SCHEME Application Form BROADBAND CONNECTION VOUCHER SCHEME Application Form This application form should be filled out by businesses and third sector organisations applying to Newport Council s Broadband Connection Voucher Scheme.

More information

Business Council of Australia

Business Council of Australia Business Council of Australia Submission to the Department of Broadband, Communications and the Digital Economy on Regulatory Reform for 21st-Century Broadband June 2009 Table of Contents Key points...

More information

How To Get The Most For Your Money From Powerdial

How To Get The Most For Your Money From Powerdial Data Connectivity Presentation t. 0191 5275000 www.powerdial.co.uk Overview Contents Network Information ADSL ( Broadband Services ) Fibre To The Cabinet ( FTTC ) Ethernet First Mile ( EFM ) Ethernet Overview

More information

High Speed Communication Guide

High Speed Communication Guide Guide Telephone: 0845 230 2940 e-mail: info@lsasystems.com Web: www.lsasystems.com Are you running at full speed? In this busy and unsecure world, businesses of all sizes need to be sure their data is

More information

FREQUENTLY ASKED QUESTIONS

FREQUENTLY ASKED QUESTIONS What is this project about? Who is behind it? Why was this area chosen? How much will the project cost? Who will get improved broadband? When will it all happen? FREQUENTLY ASKED QUESTIONS What will improved

More information

PROPOSED APPROACH TO FIXED-WIRELESS BROADBAND DEPLOYMENT AND SERVICE PROVISIONING IN SINGAPORE

PROPOSED APPROACH TO FIXED-WIRELESS BROADBAND DEPLOYMENT AND SERVICE PROVISIONING IN SINGAPORE PROPOSED APPROACH TO FIXED-WIRELESS BROADBAND DEPLOYMENT AND SERVICE PROVISIONING IN SINGAPORE A RESPONSE TO AUTHORITY'S CONSULTATION PAPER OF 16 FEBRUARY 2000 SINGAPORE TELECOMMUNICATIONS LIMITED 1. SUMMARY

More information

Croatia Experience with Regulation of Broadband Markets. Croatian Post and Electronic Communications Agency - HAKOM -

Croatia Experience with Regulation of Broadband Markets. Croatian Post and Electronic Communications Agency - HAKOM - Croatia Experience with Regulation of Broadband Markets Croatian Post and Electronic Communications Agency - HAKOM - Sarajevo, 5 th of November, 2010 Table of Content Experience with regulation of broadband

More information

Annex D: Technological developments

Annex D: Technological developments Annex D: Technological developments 1 Technology Radar Distribution Technology Demand Research Advanced Modulation Mac VLC / LiFi LPLT Spectrum Modulation Low Loss Zero Bend- Loss M-MIMO Floated In Development

More information

BROADBAND CONNECTION VOUCHER SCHEME Application Form

BROADBAND CONNECTION VOUCHER SCHEME Application Form BROADBAND CONNECTION VOUCHER SCHEME Application Form This application form should be filled out by businesses and third sector organisations applying to the Connecting Cambridgeshire Broadband Connection

More information

4G: Fourth generation mobile phone standards and technology. Provides faster mobile data speeds than the 3G standards that it succeeds.

4G: Fourth generation mobile phone standards and technology. Provides faster mobile data speeds than the 3G standards that it succeeds. Department for Culture, Media & Sport 1 Annex B: Glossary 2G: Second generation of mobile telephony systems. Uses digital transmission to support voice, low-speed data communications, and short messaging

More information

VOICE AND ANALOGUE VOICE ON THE NATIONAL BROADBAND NETWORK

VOICE AND ANALOGUE VOICE ON THE NATIONAL BROADBAND NETWORK VOICE AND ANALOGUE VOICE ON THE NATIONAL BROADBAND NETWORK Support your existing and future cusmers with our voice solutions on the National Broadband Network. As Australia transitions the National Broadband

More information

Elisa Carrier Services. Elisa Operator Broadband Services. Technologies, distribution centres and delivery interfaces

Elisa Carrier Services. Elisa Operator Broadband Services. Technologies, distribution centres and delivery interfaces 1(5) Elisa Operator Broadband Services Elisa Operator Broadband Services comprise wholesalelevel bitstream data subscriptions classified as broadband services by the Finnish Communications Regulatory Authority

More information

Review of Regulatory Guidance on the Charging Principles of Interconnection between Fixed Carriers. Consultation Paper

Review of Regulatory Guidance on the Charging Principles of Interconnection between Fixed Carriers. Consultation Paper Review of Regulatory Guidance on the Charging Principles of Interconnection between Fixed Carriers Consultation Paper 7 November 2012 INTRODUCTION Telecommunications carriers are obliged to interconnect

More information

Fibre to the Cabinet INTER. INTERCONNECT COMMUNICATIONS A Telcordia Technologies Company. Steve Morgan Senior Consultant, InterConnect Communications

Fibre to the Cabinet INTER. INTERCONNECT COMMUNICATIONS A Telcordia Technologies Company. Steve Morgan Senior Consultant, InterConnect Communications Fibre to the Cabinet The Solution to Superfast Broadband or a Convenient Stopgap? INTERCONNECT COMMUNICATIONS A Telcordia Technologies Company INT INTERCONNECT COMMUNICATIONS A Telcordia Technologies Company

More information

Electronic and Postal Communications (Access, Co-location and Infrastructure sharing) G.N. No. 429 (contd)

Electronic and Postal Communications (Access, Co-location and Infrastructure sharing) G.N. No. 429 (contd) GOVERNMENT NOTICE NO 429 published on 9/12/2011 THE ELECTRONIC AND POSTAL COMMUNICATIONS ACT (CAP.306) REGULATIONS THE ELECTRONIC AND POSTAL COMMUNICATIONS (ACCESS, CO-LOCATION AND INFRASTRUCTURE SHARING)

More information

BROADBAND CONNECTION VOUCHER SCHEME

BROADBAND CONNECTION VOUCHER SCHEME BROADBAND CONNECTION VOUCHER SCHEME Glossary What are the services available? These are some of the descriptions you will see when you start to look for a broadband connection. Contended/Shared Service

More information

Voluntary Business Broadband Speeds Code of Practice

Voluntary Business Broadband Speeds Code of Practice Voluntary Business Broadband Speeds Code of Practice Publication date: 26 January 2016 1 About this document The Voluntary Business Broadband Speeds Code of Practice aims to provide business customers

More information

Broadband Access in the BT Fixed Network extract of BCS Essex presentation, 20 March 2007. Dr Elspeth MacFadyen, Programme Director BT Group CTO

Broadband Access in the BT Fixed Network extract of BCS Essex presentation, 20 March 2007. Dr Elspeth MacFadyen, Programme Director BT Group CTO Broadband Access in the BT Fixed Network extract of BCS Essex presentation, 20 March 2007 Dr Elspeth MacFadyen, Programme Director BT Group CTO What I ll be talking about General context Access network

More information

Regulation of VoIP Services: Access to the Emergency Services Statement and publication of a statutory notification under section 48(1) of the

Regulation of VoIP Services: Access to the Emergency Services Statement and publication of a statutory notification under section 48(1) of the Regulation of VoIP Services: Access to the Emergency Services Statement and publication of a statutory notification under section 48(1) of the Communications Act 2003 modifying General Condition 4 Statement

More information

REPORT TO: ECONOMIC DEVELOPMENT AND INFRASTRUCTURE SERVICES COMMITTEE ON 25 AUGUST 2015

REPORT TO: ECONOMIC DEVELOPMENT AND INFRASTRUCTURE SERVICES COMMITTEE ON 25 AUGUST 2015 PAGE: 1 REPORT TO: ECONOMIC DEVELOPMENT AND INFRASTRUCTURE SERVICES COMMITTEE ON 25 AUGUST 2015 SUBJECT: BY: BROADBAND INFRASTUCTURE COVERAGE CORPORATE DIRECTOR (ECONOMIC DEVELOPMENT, PLANNING & INFRASTRUCTURE)

More information

HMG Review of Business Broadband. Call for evidence MAY 2016

HMG Review of Business Broadband. Call for evidence MAY 2016 HMG Review of Business Broadband Call for evidence MAY 2016 Contents Review of Business Broadband... 3 1. Executive summary... 4 2. Background and Context... 6 3. Call for Evidence... 7 4. How to respond...

More information

Frontier Networks Pty Ltd response to Superfast Broadband Access Service declaration draft decision

Frontier Networks Pty Ltd response to Superfast Broadband Access Service declaration draft decision Frontier Networks Pty Ltd response to Superfast Broadband Access Service declaration draft decision PUBLIC VERSION 4 DECEMBER 2015 1 Frontier Networks Pty Ltd (Frontier) welcomes the opportunity to respond

More information

GUIDELINE ON THE APPLICATION OF THE SUITABILITY AND APPROPRIATENESS REQUIREMENTS UNDER THE FSA RULES IMPLEMENTING MIFID IN THE UK

GUIDELINE ON THE APPLICATION OF THE SUITABILITY AND APPROPRIATENESS REQUIREMENTS UNDER THE FSA RULES IMPLEMENTING MIFID IN THE UK GUIDELINE ON THE APPLICATION OF THE SUITABILITY AND APPROPRIATENESS REQUIREMENTS UNDER THE FSA RULES IMPLEMENTING MIFID IN THE UK This Guideline does not purport to be a definitive guide, but is instead

More information

Fibre Networks Deliver Customer Value

Fibre Networks Deliver Customer Value Turning networks into a competitive edge Fibre Networks Deliver Customer Value NCS GROUP OFFICES Australia Bahrain China Hong Kong SAR India Korea Malaysia Philippines Singapore Sri Lanka Your Partner

More information

Ref: ED Responding to Non-Compliance or Suspected Non-Compliance with Laws and Regulations

Ref: ED Responding to Non-Compliance or Suspected Non-Compliance with Laws and Regulations October 15. 2015 IAASB Ref: ED Responding to Non-Compliance or Suspected Non-Compliance with Laws and Regulations FSR - danske revisorer welcomes this project to ensure consistency between ISAs and the

More information

Public Consultation on an EU Initiative to Reduce the Cost of Rolling Out High Speed Communication Infrastructure in Europe

Public Consultation on an EU Initiative to Reduce the Cost of Rolling Out High Speed Communication Infrastructure in Europe Public Consultation on an EU Initiative to Reduce the Cost of Rolling Out High Speed Communication Infrastructure in Europe Response from BT Group plc Background and Context BT recognises the importance

More information

Broadband jargon buster

Broadband jargon buster Better business is better connected Leeds Bradford broadband connection voucher scheme Broadband jargon buster #superfastbritain www.superconnectedleedsbradford.co.uk Terminology Buster These are some

More information

SELECTING A COMPETENT FIRE RISK ASSESSOR

SELECTING A COMPETENT FIRE RISK ASSESSOR SELECTING A COMPETENT FIRE RISK ASSESS by a representative of the IFE Fire Risk Assessors' and Auditors' Register Professional Review Panel Introduction Previous speakers have identified, and examined,

More information

The part of the network that connects customers to the exchange, sometimes called the local loop or the last mile.

The part of the network that connects customers to the exchange, sometimes called the local loop or the last mile. Glossary of broadband terms 3G: Refers to the third generation of mobile phone technology following on from 2G. 3G allows for faster access to the internet and allows services including video calls and

More information

Commissioned by Plymouth City Development Company

Commissioned by Plymouth City Development Company Report on Digital Plymouth NGA Strategy Commissioned by Plymouth City Development Company Executive Summary Prepared by: Adroit Economics, ekosgen and InterConnect Communications Project Managed by: Plymouth

More information

Designation of Universal Service Provider

Designation of Universal Service Provider Designation of Universal Service Provider Public Consultation C07/15 9 th September 2015 Gibraltar Regulatory Authority Communications Division 2 nd floor Eurotowers 4 1 Europort Road Gibraltar Telephone

More information

Superfast Cornwall Extension Programme To further extend coverage of Superfast Broadband across Cornwall

Superfast Cornwall Extension Programme To further extend coverage of Superfast Broadband across Cornwall 25 May 2016 Superfast Cornwall Extension Programme To further extend coverage of Superfast Broadband across Cornwall STATE AID PUBLIC CONSULTATION 1. Introduction The Superfast Cornwall Extension Programme

More information

Product Datasheet. Broadband. Tel: 0870 160 0650 Email: sales@vaioni.com

Product Datasheet. Broadband. Tel: 0870 160 0650 Email: sales@vaioni.com Broadband Vaioni has a powerful broadband portfolio providing one of the most comprehensive ranges of broadband products in the industry. Our broadband utilises two of the best networks including BT and

More information

Contents. 1 The Determinations 27 2 Ofcom's dispute resolution powers, statutory obligations and regulatory principles 41

Contents. 1 The Determinations 27 2 Ofcom's dispute resolution powers, statutory obligations and regulatory principles 41 Determinations to resolve Disputes between BT and each of Cable & Wireless, Gamma, Colt, Verizon and Opal regarding the repayment by BT of certain charges for the transit of traffic Final determinations

More information

Open Access Fibre Networks

Open Access Fibre Networks Open Access Fibre Networks Contact: 087 470 0800 www.octotel.co.za hello@octotel.co.za 76 Regent Rd, Sea Point, Cape Town Open Access Fibre for Apartment Buildings Super fast Fibre internet for your residents,

More information

Smart Metering Implementation Programme

Smart Metering Implementation Programme Smart Metering Implementation Programme Foundation Smart Market The Government s final response to the consultation on the Foundation Smart Market 24 July 2013 Department of Energy and Climate Change 3

More information

Designation of BT and Kingston as universal service providers, and the specific universal service conditions

Designation of BT and Kingston as universal service providers, and the specific universal service conditions =>? Designation of BT and Kingston as universal service providers, and the specific universal service conditions A statement and Notification issued by the Director General of Telecommunications on the

More information

Telstra. New Developments Policy TELSTRA CORPORATION LIMITED (ABN 33 051 775 556)

Telstra. New Developments Policy TELSTRA CORPORATION LIMITED (ABN 33 051 775 556) Telstra New Developments Policy Contents 1. Background... 3 2. Infrastructure Provider of Last Resort... 3 3. Circumstances where Telstra is the IPOLR... 4 3.1. Notification... 5 3.2. Charges... 6 3.2.1.

More information

TERMS AND CONDITIONS FOR THE ETHERNET SERVICE

TERMS AND CONDITIONS FOR THE ETHERNET SERVICE TERMS AND CONDITIONS FOR THE ETHERNET SERVICE The terms and conditions incorporated in this online order or attached order form ( the Order ) constitute an addendum to the Company s Supply Agreement (Electronic

More information

SSARS 19. Objectives and Limitations of Compilation and Review Engagements. Hierarchy of Compilation and Review Standards and Guidance

SSARS 19. Objectives and Limitations of Compilation and Review Engagements. Hierarchy of Compilation and Review Standards and Guidance SSARS 19 The Accounting & Review Services committee has issued Statement on Standards for Accounting & Review Services No. 19. Generally the standard is effective for compilations and reviews of financial

More information

The costs of deploying fibre-based next-generation broadband infrastructure

The costs of deploying fibre-based next-generation broadband infrastructure Final report for the Broadband Stakeholder Group The costs of deploying fibre-based next-generation broadband infrastructure Final report 8 September 2008 This report has been commissioned by the Broadband

More information

CONTACT(S) Kenichi Yoshimura kyoshimura@ifrs.org +44 (0)20 7246 6905

CONTACT(S) Kenichi Yoshimura kyoshimura@ifrs.org +44 (0)20 7246 6905 STAFF PAPER IFRS Interpretations Committee Meeting 18 19 September 2012 Project Paper topic IAS 40 Investment Property Accounting for telecommunication tower CONTACT(S) Kenichi Yoshimura kyoshimura@ifrs.org

More information

BROADBAND CONNECTION VOUCHER SCHEME

BROADBAND CONNECTION VOUCHER SCHEME BROADBAND CONNECTION VOUCHER SCHEME Application Form This application form should be filled out by businesses and third sector organisations applying to The City of Edinburgh Council s Broadband Connection

More information

Licensing, compliance and enforcement under the Gambling Act 2005: policy statement. March 2015

Licensing, compliance and enforcement under the Gambling Act 2005: policy statement. March 2015 Licensing, compliance and enforcement under the Gambling Act 2005: policy statement March 2015 Section 5 updated in November 2015 Contents 1 Introduction 3 2 Assessing risk 5 3 Licensing 8 4 Compliance

More information

A guide to VoIP for small to medium sized business

A guide to VoIP for small to medium sized business //VoIP Telecommunications Company A guide to VoIP for small to medium sized business Contents 1 I want to move my business to VoIP. The things you will need to consider. The key points 2 3 4 Types of connectivity

More information

EMERGENCY FLEXIBLE BACK-UP. Internet packages to support your business

EMERGENCY FLEXIBLE BACK-UP. Internet packages to support your business EMERGENCY FLEXIBLE BACK-UP Internet s to support your business EMERGENCY 24-48 hours 7 days 100 10 per day 110 Yes Yes For customers who already have an Internet connection, our contracts give more flexibility

More information

APPLICATION OF THE NEW EU REGULATORY FRAMEWORK TO IP TELEPHONY

APPLICATION OF THE NEW EU REGULATORY FRAMEWORK TO IP TELEPHONY Electronic Communications Committee (ECC) within the European Conference of Postal and Telecommunications Administrations (CEPT) APPLICATION OF THE NEW EU REGULATORY FRAMEWORK TO IP TELEPHONY Paris, March

More information

Managed WAN Installation Service Definition

Managed WAN Installation Service Definition Version 2.0 2 nd March 2015 Contents CONFIDENTIALITY STATEMENT......... 4 1 DOCUMENT CONTROL......... 5 1.1 Version control... 5 1.2 Distribution Intended... 5 2 INTRODUCTION......... 6 3 INSTALLATION

More information

Extraordinary UK Ethernet

Extraordinary UK Ethernet Extraordinary UK Ethernet Ethernet Guide. The world of 21CN Ethernet connectivity can be a daunting place. As one of the leading forces in Ethernet Aggregation in the UK, we've seen our fair share of poor

More information

European Commission Consultation document on Voice over IP

European Commission Consultation document on Voice over IP STELLUNGNAHME European Commission Consultation document on Voice over IP This paper provides the eco comment on the European Commission consultation document. eco is the association of German internet

More information

Growing Optical Fiber Deployment Drives Demand for Semiconductors in Copper-Based Telephony

Growing Optical Fiber Deployment Drives Demand for Semiconductors in Copper-Based Telephony Growing Optical Fiber Deployment Drives Demand for Semiconductors in Copper-Based Telephony Wireline telephony may seem like old technology, having been around for more than 100 years, but it is still

More information

Service Level Agreement Internet and IP Hosted Telephony Services-Jan 2015

Service Level Agreement Internet and IP Hosted Telephony Services-Jan 2015 Service Level Agreement Internet and IP Hosted Telephony Services-Jan 2015 Interact Technology Limited will use reasonable endeavours to comply with the service levels set out in this section, but these

More information

UNIVERSITIES SUPERANNUATION SCHEME RESPONSIBLE INVESTMENT - LEGAL CONSIDERATIONS

UNIVERSITIES SUPERANNUATION SCHEME RESPONSIBLE INVESTMENT - LEGAL CONSIDERATIONS 1. SUMMARY UNIVERSITIES SUPERANNUATION SCHEME RESPONSIBLE INVESTMENT - LEGAL CONSIDERATIONS 1.1 The purpose of this paper is to set out our advice to the Trustee Company 1 with regard to the legal considerations

More information

Making Communities Better with Broadband

Making Communities Better with Broadband * Making Communities Better with Broadband So Many Choices!!!!!! Where Do I Even Start? *Where to Begin *Start With Your Community *Demographics *Current Needs *Vision for the Future *Strengths and Challenges

More information

IFIEC Europe Brussels, 30 April 2008

IFIEC Europe Brussels, 30 April 2008 INTERNATIONAL FEDERATION OF INDUSTRIAL ENERGY CONSUMERS IFIEC Europe Brussels, 30 April 2008 Draft Guidelines on Article 22 A contribution from IFIEC Europe Introduction Directive 2003/55/EG concerning

More information

Swansea University. ICT Infrastructure Strategic Plan: 2015 2017

Swansea University. ICT Infrastructure Strategic Plan: 2015 2017 Swansea University ICT Infrastructure Strategic Plan: 2015 2017 Context ICT is essential for the University to achieve its ambitious expansion plans and to operate on a day today basis. IT underpins our

More information

2 box model (in the SOP)

2 box model (in the SOP) Term 2 box model (in the SOP) Definition Refers to the arrangement under which Telecom structurally separates into Chorus2 (network and some wholesale) and Telecom2 (retail and some wholesale), but is

More information

FTTx Roll-out: A Commercial Perspective beyond Technology

FTTx Roll-out: A Commercial Perspective beyond Technology Opinion Paper FTTx Roll-out: A Commercial Perspective beyond Technology 2010 / 11 We make ICT strategies work Table of Contents 1 Motivation...3 2 Roll-out Levers...4 2.1 Demand Drivers...4 2.2 Competitive

More information

Broadband Delivery UK. National Broadband Scheme for the UK: Supporting the local and community roll-out of superfast broadband

Broadband Delivery UK. National Broadband Scheme for the UK: Supporting the local and community roll-out of superfast broadband Please Note: This document is made available by BDUK to local bodies for guidance in respect of local broadband projects. It is not to be used for any other purpose. This document may contain certain high

More information

Business Connectivity Market Review Review of the retail leased lines, wholesale symmetric broadband origination and wholesale trunk segments markets

Business Connectivity Market Review Review of the retail leased lines, wholesale symmetric broadband origination and wholesale trunk segments markets Business Connectivity Market Review Review of the retail leased lines, wholesale symmetric broadband origination and wholesale trunk segments markets Statement Publication date: 13 February 2009 Contents

More information

Broadband Connection Voucher Scheme

Broadband Connection Voucher Scheme Broadband Connection Voucher Scheme Application Form This application form should be filled out by businesses and third sector organisations applying to the Brighton & Hove Broadband Connection Voucher

More information

Superfast Berkshire Project Update September 2015

Superfast Berkshire Project Update September 2015 Superfast Berkshire Project Update September 2015 We are pleased to provide an update to Digital Champions on the Superfast Berkshire project. We appreciate that these updates have not been as frequent

More information

Information Crib Sheet Internet Access Service Agreement

Information Crib Sheet Internet Access Service Agreement Information Crib Sheet Internet Access Service Agreement 1. Definitions and Interpretation This Service Agreement is to be read in conjunction with the Conditions for Communications Services (the Conditions

More information

Towards Next generation Access Networks in the UK

Towards Next generation Access Networks in the UK Towards Next generation Access Networks in the UK Michael Robertson CIP Technologies, Adastral Park, Martlesham Heath, IPSWICH, IP5 3RE Email: michael.robertson@ciphotonics.com Website: www.ciphotonics.com

More information

ITSPA response to Ofcom s strategic review of consumer switching

ITSPA response to Ofcom s strategic review of consumer switching ITSPA response to Ofcom s strategic review of consumer switching About ITSPA The Internet Telephony Services Providers Association (ITSPA) is the UK VoIP industry s trade body, representing 60 UK businesses

More information

Independent cost benefit analysis of broadband and review of regulation

Independent cost benefit analysis of broadband and review of regulation Independent cost benefit analysis of broadband and review of regulation Volume II The costs and benefits of high speed broadband August 2014 1 of 196 The costs and benefits of high speed broadband This

More information

Preparing for the NBN. Fibre Connections

Preparing for the NBN. Fibre Connections Preparing for the NBN Fibre Connections Preparing for the NBN Congratulations on choosing to join the National Broadband Network Your new fibre optic connection will give you access to world-class high

More information

Document Purpose: Sets out the Local Broadband Strategy for the Connecting Shropshire Programme. The content is only current at the time of issue.

Document Purpose: Sets out the Local Broadband Strategy for the Connecting Shropshire Programme. The content is only current at the time of issue. Document Purpose: Sets out the Local Broadband Strategy for the Connecting Shropshire Programme. The content is only current at the time of issue. Version History Version Issue Date Brief Summary of Change

More information

Smart Meter Wide Area Network DCC Assurance Strategy

Smart Meter Wide Area Network DCC Assurance Strategy Smart Meter Wide Area Network DCC Describing the means by which DCC seeks to ensure that Communication Service Providers meet their connectivity and coverage service commitments Version: v1.0 Date: 2016-03-07

More information

Competition and Markets Authority (CMA) Consultation: Personal Current Accounts and banking services to small and medium sized enterprises (SMEs)

Competition and Markets Authority (CMA) Consultation: Personal Current Accounts and banking services to small and medium sized enterprises (SMEs) Competition and Markets Authority (CMA) Consultation: Personal Current Accounts and banking services to small and medium sized enterprises (SMEs) Response by Santander UK plc 1. Introduction 1.1 Santander

More information